T: +357 22 456 363 | E: [email protected]

FBS
Regulated by Cyprus Securities and Exchange Commission

Cyprus Company Formation
and Corporate Services

Focus Business Services is one of the most reputable and well-established corporate service providers in Cyprus. Our mission is to provide an impeccable and seamless services to our ever-increasing local and international client base at reasonable prices

Learn More

Cyprus Company Tax | Updates

Cyprus Company Formation Packages

€250 – Cyprus Company Formation

We are Cyprus Company Formation specialist consultants. We provide ALL the Cyprus company formation and company registration and management services in order to obtain Cyprus Company Tax Advantages. We have an experienced team of Company Formation professionals who are part of the FBS Kotsomitis Global Network. Your Trusted Partner in Cyprus for ALL your Cyprus Company Formation.

Nicosia, May 2012

Interest deductibility

No interest expense restriction will apply in cases where shares are acquired directly or indirectly in a wholly owned subsidiary provided that this subsidiary does not own any assets which are not used in the business.

If this subsidiary does own assets that are not used in the business, the restriction of interest will only correspond to the percentage of assets not used in the business.

This change is expected to make the Cyprus Holding Company much more attractive than before as interest will now be an allowable expense for tax purposes. Such interest expense can be used in group structures for group relief purposes.

Group relief provisions

Under the current provisions of group relief, a company is considered to belong to the same group for group relief purposes if it is part of that group for a whole tax year.

With the amended legislation, in cases where a company has been incorporated by its parent company during the tax year, this company will be deemed to be a member of this group for group relief purposes for that tax year.

Related party transactions

The transfer pricing provisions of section 33 will not apply for transactions between parent and wholly owned subsidiary companies for which the group relief provisions of section 13 apply.

This change in the law will impact on the provisions of section 33 in cases where there may be an intercompany balance between two companies that are part of the same group for group relief purposes (as long as there is a 100% direct ownership).

In this way, routine tax adjustments previously imposed under section 33 which did not necessarily eliminate the tax avoidance of companies will be avoided.

Capital Allowances

The rate of capital allowances for any plant and machinery purchased in the tax years 2012, 2013 and 2014 has been set at 20%, unless the rate of capital allowances on such assets is higher.

For industrial and hotel buildings purchased in the tax years 2012, 2013 and 2014, the capital allowances rate will be increased from 4% to 7%.

This change in the Income Tax Law, along with the change in the Special Contribution for the Defence law (see below) should encourage corporate investment in plant and machinery, industrial and hotel buildings.

Provident Funds

For the purposes of the Income Tax Law, approved Provident Funds and Pension Funds are those which have been approved by the Commissioner of Income Tax.

Special Contribution for the Defense Law

In calculating the profits subject to deemed distribution under this law, a deduction will be given for the acquisition of any plant and machinery purchased in tax years 2012, 2013 and 2014.

The definition of plant and machinery is the same as that in the Income Tax Law and it excludes any saloon cars purchased for private use.

This provision will apply for the profits earned in the tax years 2012, 2013 and 2014.

Contact one of our officers to initiate the incorporation of a Cyprus registered company and start reaping the full benefits of an onshore, low-tax, EU jurisdiction. Simply fill in the contact box below or contact us by email on [email protected]

BLOGS | RELATED LINKS

Cyprus Company Formation Fees

Cyprus Forex Company

Cyprus Citizenship

Contact Us Now

CONTACT DETAILS

2nd floor
BIONIC Building
3, Diomedous Street, Strovolos
P. O. Box 22784, CY-1524 Nicosia
Cyprus

T: + (357) 22 456 363
F: + (357) 22 668 180
E: [email protected]

Cyprus Company Incorporation

Get in touch with us

    • All fields marked with * are mandatory

    • +357 22 456 363

    • Join our Mailing list
    • 2nd Floor
      BIONIC Building
      3, Diomedous Street, Strovolos
      P. O. Box 22784, CY-1524 Nicosia
      CYPRUS

    Close
    Very Important Note – Website Content

    The content of this website is currently being updated to effect changes to align our content with the OECD CRS & Mandatory Disclosure Requirements, EU Tax Disclosure Directive and other anti-tax avoidance directives and General Data Protection Regulation (GDPR). The content of some pages is out-of-date. Our firm is, at the moment, fully aligned and committed to staying compliant with the above in all client cases. We welcome clients investing in countries that within a reasonable time frame intend to take up residence, create substance in their company and not engage in aggressive tax avoidance activities or having tax benefit or CRS avoidance as the main purpose of their investment. Thank you very much for your cooperation and please contact us on [email protected] for advice on your specific circumstances.